Oregon Supreme Court

Ooma, Inc. v. Dept. of Rev.

December 23, 2021369 Or. 95

Summary

The Oregon Supreme Court affirmed the Tax Court, holding that Ooma, Inc. satisfied both the Due Process minimum‑contacts test and the Commerce Clause substantial‑nexus test for Oregon’s E911 tax. The court reasoned that Ooma’s marketing, sales, and service activities in Oregon constituted purposeful availment and a substantial business presence.